1. FDA UPDATE AND HOW
IT AFFECTS YOUR
BUSINESS
Created by: Monica Dema for RCM
Technologies
2.  On January 18, 2011 President Obama
issued a Presidential memorandum on
Regulatory Compliance, requiring federal
agencies to make publicly available
compliance information easily
accessible, downloadable, and searchable
online.
3.  President Obama
stated: Greater
disclosure of
regulatory
compliance
information fosters
fair and consistent
enforcement of
important regulatory
obligations.
4.  Such disclosure is
a critical step in
encouraging the
public to hold the
Government and
regulated entities
accountable.
5.  THE FDA responded to the Presidential
Memorandum on Regulatory Compliance in a
memo to the Department of Health and Human
Services (HHS) on May 6, 2011.
6.  The FDA Response summarized the actions
that the Agency already had
implemented, as well as those that were
underway or proposed, to make its
regulatory compliance and enforcement
information more publicly accessible.
7.  The FDA stated it would issue
proposals for comment by October
3, 2011 if it concluded that there were
additional opportunities to increase the
transparency of its compliance and
enforcement data and by January
31, 2012 they would determine
whether to adopt those proposals.
8.  After meeting with the EPA and DOL to discuss
ways to make compliance and enforcement
data more accessible, the FDA determined
that additional steps were needed to make its
own information more transparent and
accessible to the public.
9.  Thus, the Agency is issuing the following
report, which contains a number of draft
proposals for public comment.
10.  The following section summarizes the status of
the actions that FDA has implemented,
undertaken, or proposed, to date, to make its
compliance and enforcement data more
transparent and accessible.
11.  The section that follows will summarize the
EPA and DOL activities that have promoted
greater public access to their enforcement and
compliance data.
 The last section lists the FDA’s draft proposals
for public comment.
12. Section One
 Phase I: FDA Basics – in January 2010 the
FDA launched a web-based resource called
FDA Basics which provides the public
information about FDA.
13. Section One
 Phase II: Public Disclosure – in May 2010 the
Task Force released a report with draft
proposals to increase transparency, while
protecting confidential information.
14. Section One
 Phase III: Transparency to Regulated Industry
– in January 2011 the Task Force released a
report with action items and draft proposals to
make FDA more transparent and to foster a
more efficient and cost-effective regulatory
process.
15. Highlights
 In Draft Proposal 6 – FDA has posted a
searchable inspections database that allows
users to search by firm name, geographic
information, the date of inspection, the FDA-
regulated product involved (by center and
inspection type), and the final inspection
classification.
16. Highlights
 Disclosing this information increases the
public’s understanding about the actions FDA
is undertaking to protect the public health, and
it may serve as an incentive for firms to correct
their violations and improve compliance efforts
17. Highlights (con.’t)
 Draft Proposal 7 – FDA has posted summaries
of the most common inspection observations
of objectionable conditions to better inform
industry compliance efforts.
18. Highlights (con.’t)
 In the same news release they also
announced that it has developed a web-portal
entitled “Information about FDA Compliance
and Enforcement Actions,” so that
stakeholders can access information about
key transparency activities related to
enforcement and compliance in one place.
 Itprovides links to the enforcement action press
release webpage, inspections database, and
common inspection observations discussed
above.
19.  May 26, 2011 the FDA announced that by the
end of 2011 the Agency will begin to disclose
additional information about FDA evaluations
of filers, support industry efforts during food
recall to inform consumers about products that
are not subject to the recall, and expand
disclosure of untitled letters.
20.  The Presidential Memorandum on Regulatory
Compliance, the President highlighted the
achievements of EPA and DOL in making
compliance and enforcement information more
accessible to the public on EPA’s Enforcement
& Compliance History Online (ECHO) and
DOL’s Enforcement Data 2.0 website.
21. ECHO
 The ECHO site allows users to find
inspection, violation, enforcement
action, informal enforcement action, and
penalty information from the last three years
about facilities regulated under the Clean Air
Act (CAA) Stationary Source Program, Clean
Water Act (CWA), National Pollutant
Elimination Discharge System
(NPDES), Resource Conservation and
Recovery Act (RCRA), and Safe Drinking
Water Act (SDWA).
22. ECHO
 ECHO also includes SDWA data, Toxics
Release Inventory data, National Emissions
Inventory data, and Water Quality data.
23. Motives
 Posting Current and high-quality data
increases transparency, and a number of
process controls can be implemented to
improve data quality and expedite
disclosure, including…..
24. Motives
 Betterfield technology can speed disclosure – the
more quickly inspectors can enter data into the
database, the more quickly the agency can
disclose it publicly.
25. Motives
 Agencies can improve data quality and expedite
data entry by implementing administrative
incentives. EX – EPA field investigators do not get
credit for inspections unless the field office
certifies that the data has been properly recorded
in a timely manner.
26. Motives
 Increasingtransparency, itself, provides an
opportunity to improve data quality. Greater
transparency reveals data errors and provides an
opportunity to improve data quality if appropriate
mechanisms for error reporting and data
correction are in place.
27. Motives
 Integrated databases with specific search
criteria permit stakeholders and the media to
analyze data more easily and better
understand compliance and enforcement
trends
28. Motives
 Presenting data graphically and providing
mobile applications of databases increase
transparency by driving more users to the
website.
29. Motives
 Data analysis and/or different compilations of
the same data, prepared by the
agency/department, also help stakeholders
and the media better utilize data and
understand compliance and enforcement
trends.
30. Motives
 All compliance and enforcement data that is
disclosed should be placed in context to
ensure that the data is not misinterpreted or
misused.
31. Draft Proposal 1
 FDA should explore different ways to improve
data quality and facilitate more timely data
disclosure by expediting data entry, expediting
inspection review and classification, and/or
updating the data more frequently.
Improve data
Timely disclosure
Quicker Review
Quicker
Classification
Data updates
32. Draft Proposal 1
 Tools to improve data quality and speed data
disclosure may include:
 Providing new technologies to investigators
 Introducing other process improvements,
 And/or implementing administrative incentives.
33. Draft Proposal 1
• To implement these types of tools effectively, FDA
also should explore how frequently data should be
updated in order for it to be useful to stakeholders.
34. Draft Proposal 2
 Although FDA’s inspections database
webpage currently provides an email address
where stakeholders can submit questions
about the database, the FDA should explore
whether:
35. Draft Proposal 2
 Reporting buttons, or other tools specifically
focused on error reporting, would allow
stakeholders to more easily identify potential
errors in compliance and enforcement
data, and…
36. Draft Proposal 2
 The Agency can implement procedures for
investigating potential errors and correcting
data, when appropriate, that would enable the
Agency to remedy the errors more
expeditiously.
37. Further Reading
 RCM Technologies
 FDAs New Process Validation Guidance
 Food and Drug Administration
 Monica Dema’s LinkedIn